IIR international supplementary tax to come into force in 2025

Bern, 04.09.2024 - During its meeting on 4 September 2024, the Federal Council decided to bring the income inclusion rule (IIR) into force with effect from 1 January 2025. This international supplementary tax will complement the Swiss supplementary tax (QDMTT) already introduced in 2024. Both tax rules will ensure that tax receipts stay in Switzerland, rather than flowing abroad, and provide legal certainty.

In 2023, the people and the cantons voted in favour of the Federal Council introducing the OECD/G20 minimum tax rate in Switzerland. The main aim is to prevent Switzerland from foregoing tax receipts in favour of foreign countries. The Swiss supplementary tax (QDMTT), which the Federal Council introduced in 2024, serves this purpose (see also box). During its meeting on 4 September 2024, the Federal Council also decided to bring the income inclusion rule (IIR) into force in 2025. With this international supplementary tax, the profits of foreign subsidiaries of Swiss corporate groups, as well as those of intermediate holding companies of foreign corporate groups, are taxed at 15%, provided the corporate group's global annual turnover is at least EUR 750 million.

If Switzerland did not bring the IIR into force, other jurisdictions could tax these foreign profits in accordance with the OECD/G20 minimum taxation rules by applying the second international supplementary tax, the undertaxed profits rule (UTPR). The vast majority of EU member states, as well as the United Kingdom, Canada and Australia, are planning to apply the UTPR from 2025 onwards, following their introduction of both the IIR and the QDMTT in 2024.

By bringing the IIR into force, Switzerland can secure receipts which can then be used to strengthen the country's attractiveness as a business location. Moreover, the Federal Council will thereby provide legal certainty in Switzerland. In practice, the companies affected can be spared a multitude of tax procedures in jurisdictions that apply the UTPR.

Receipt estimates for the IIR involve a high degree of uncertainty. Roughly speaking, they could amount to between CHF 500 million and CHF 1 billion, whereby between CHF 125 million and CHF 250 million would go to the Confederation based on the constitutional allocation key, and between CHF 375 million and CHF 750 million would go to the cantons.

No UTPR in Switzerland for the time being

The Federal Council has decided not to bring the UTPR into force for the time being, as it believes that the risks associated with such a move would outweigh the revenue potential of a UTPR. Moreover, the UTPR is subject to criticism from a legal standpoint. When weighing up the interests at stake, the Federal Council relied on an expert opinion prepared by Prof. René Matteotti from the University of Zurich. The FDF will continue to keep a very close eye on international developments with respect to the implementation of the OECD/G20 minimum tax rate.

Glossary
The OECD/G20 minimum taxation rules (QDMTT, IIR and UTPR) apply to international corporate groups with global annual turnover of at least EUR 750 million. The measures are applied in sequence.

Firstly, the QDMTT ensures minimum taxation for affected corporate groups or business units in their home jurisdiction. It has been in force in Switzerland since 1 January 2024. Secondly, the IIR also ensures minimum taxation for all foreign business units of a corporate group at the ultimate parent entity (or an intermediate holding company) if the business units in question are not subject to minimum taxation abroad. As a catch-all measure, the UTPR ensures minimum taxation for all business units of a corporate group, including in the case of undertaxed profits that are subject to neither a QDMTT nor an IIR.

 


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Adrian Grob, Communications Specialist
Federal Tax Administration FTA
Tel. +41 58 464 90 00, media@estv.admin.ch (media enquiries only)



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